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THE FOURTH ANNUAL MEDICAL RESEARCH SUMMIT APRIL 21-23, 2004. “The Use of Hazardous Materials in Human Subject Research” Kenneth L. Dretchen, Ph.D. Georgetown University Moderator Susan M. Martin, MS, CSHM Georgetown University Sheila Cohen Zimmet, BSN, JD Georgetown University
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THE FOURTH ANNUALMEDICAL RESEARCH SUMMITAPRIL 21-23, 2004 “The Use of Hazardous Materials in Human Subject Research” Kenneth L. Dretchen, Ph.D. Georgetown University Moderator Susan M. Martin, MS, CSHM Georgetown University Sheila Cohen Zimmet, BSN, JD Georgetown University Susan L. Rose, Ph.D. Univ. of Southern California
How to Facilitate Research Efforts While Maintaining Regulatory Compliance Susan Martin, MS, CSHM Director, EH&S Georgetown University
Georgetown University Office of Regulatory AffairsFive Oversight Committees for Hazardous Materials • IBC (Institutional Biosafety Committee) • CSRC (Chemical Safety Review Committee) • RSC (Radiation Safety Committee) • IACUC (Institutional Animal Care & Use Committee) • IRB (Institutional Review Board: Human Subject Research) Georgetown University
& Institutional Biosafety Committee (IBC) Biological Safety Program Subject: All Research Involving Use of: Infectious/Biohazardous Agents Recombinant DNA Molecules Transgenic Animals (Creation of) Regulated By: Center For Disease Control (CDC) National Institutes of Health (NIH) U.S. Department of Health and Human Services (HHS) US Patriot Act Requirements: ProtocolApproval 5 Year Protocol Renewal Annual Registration Training Personal Protective Equipment (PPE) • Inspections • Medical Surveillance • Emergency Response • Disposal & Waste Georgetown University
“Bloodborne Pathogens; Exposure Program Biological Safety (Cont.) Subject: Standard applies to any employee who has a reasonably anticipated exposure to human blood, and/or body fluids. Regulated By: OSHA Standard 1910-1030 Requirements: Develop Exposure Control Plan & Policy Training: Initial & Annual HBV Vaccination (Offered) Personal Protective Equipment (PPE) Inspections Medical Surveillance Emergency Response Disposal & Waste Georgetown University
Chemical Safety Review (CSR) Chemical Safety Subject: Any research involving use of Particularly Hazardous Chemicals Regulated By: Occupational Safety and Health Administration (OSHA) National Fire Protection Association (NFPA) Environmental Protection Agency (EPA) Requirements: Laboratory Specific Chemical Hygiene Plan Standard Operating Procedures Training Personal Protective Equipments (PPE) Inspections Medical Surveillance Emergency Response Disposal & Waste Georgetown University
Radiation Safety Committee (RSC) Radiation Safety Subject: All Research Involving the Use of Radioactive Materials Radiation Producing Devices Cesium-137 Research Irradiator Regulated By: USNuclear Regulatory Commission (10 CFR) District of Columbia – Department of Health Requirements: Authorized User and Protocol Approvals RSO Policy and Procedure Approvals 3 Year Renewals Training Personal Protective Equipment (PPE) Inspections Medical Surveillance Emergency Response Disposal & Waste Georgetown University
Hazardous Materials Interrelationships NIH/Recombinant Advisory Committee (RAC) Georgetown University Regulatory Affairs IBC & CSRC IRB IACUC RSC Georgetown University U.S. Nuclear Regulatory Commission & EPA
Functional Relationships • Applications Filed Simultaneously • Cross representation by committee members • Communication among administrative personnel • Grants and Contracts Submission Form • Cross References In Application Forms Georgetown University
Institutional Biosafety Committee Protocol for Research Involving Biological Hazards & Chemical Safety Review Protocols for all research at Georgetown University involving Biological Hazards must be submitted to the Institutional Biosafety Committee (IBC) for review. For purposes of the IBC, Biological Hazards include: A) Recombinant DNA, B) Infectious Agents, C) Hazardous/Carcinogenic Chemicals, and D) Transgenic Animals. Research protocols involving the use of any of these entities must contain a detailed description of potential danger(s) posed by the agent(s), Anda summary of safeguards, training, and procedures which will be employed to protect both laboratory personnel and the GU community. Will this protocol involve the use of Radioactive Materials? (1) Will this protocol involve the use of Animals?(2) Will this protocol involve Human Subjects? (Clinical Trials)(3) (1)For research involving the use of Radioactive Materials or Radiation Producing Equipment . . ., a copy of this protocol must also be submitted to the Radiation Safety Office. (2)For research involving Animals, a copy of this protocol must also be submitted to the GUACUC. (3)For research involving Human Subjects, IRB [prior] approval must be demonstrated. Georgetown University
Overall Approaches to Facilitate These Interactions • Electronic links • Who, What and Where? • Program Orientation and Review (Initial and Annual) • Annual Training Sessions for All Faculty and Research Staff • New P.I. (one on one) • New Research Staff • New Employee Support Staff • Monitoring to Insure Compliance • Pre-Inspection • Quarterly Review • Annual Review • Close-Out Inspection • Disciplinary Action (If necessary) • Suspension • Termination Georgetown University
Georgetown University
Sheila Cohen ZimmetDirector, Research Assurance and ComplianceGeorgetown University Sheila Cohen ZimmetDirector, Research Assurance and ComplianceGeorgetown University
What did they do wrong? No IRB review No OBA/RAC review Administration of a Recombinant DNA molecule to a human requires prior OBA/RAC review. NIH Office of Biotechnology Activities (Recombinant DNA Advisory Committee) http://www4.od.nih.gov/oba/ Any questions: e-mail: oba@od.nih.gov Phone: 301-496-9838 FAX: 301-496-9839
Georgetown University Institutional Review Board Application Protocol for Biomedical IRB Review • Section Two: Additional Georgetown University Regulatory Information • Does this project involve the use of biohazardous materials, recombinant DNA and/or gene therapy? • Yes. If so, Institutional Biosafety Committee (IBC) approval must be obtained. • No • Has the Institutional Biosafety Committee approved the protocol? • Approved Date Approved: • Application Pending Date Submitted: • 2. Does this project include the use of radioisotopes and/or radiation-producing devices regardless of whether the use is incidental to the project? • Yes. If so, all protocols must be submitted to the RSC along with a completed RSC-4 or RSC-5 form. The forms require information on the use of radioisotopes and radiation-producing devices and must include dose calculations. • No • Has the Radiation Safety Committee approved the protocol? • Approved Date Approved: • Application Pending Date Submitted:
Study#1: Study of early immune response in advanced cancer patients with CEA expressing carcinomas to vaccination with CEA-based vaccines using infectious agents, Vaccinia virus and Fowlpox, as viral vectors.Scientific review, including animal studies OBA/RAC approval Adequacy of safety precautions for subjects, family members and other close contacts, pharmacy, and medical and nursing staff – including opt out for staff, especially those with small children at home or pregnant staff;
What did they do wrong? No IACUC Review Vertebrate Animal Animal Welfare Act Was there adequate animal testing before initiating human clinical trial? Was animal data accurate and complete?
Georgetown University Animal Care and UseCommittee (GUACUC) Proposal to UseLaboratory Animals in Research and TeachingSpecial ConcernsYes No Does the project involve recombinant DNA (including)transgenic animals), toxic, carcinogenic or infectious agents in animals? If yes, submit one copy of the Protocol for Research involving Biologic and Chemical hazards Form to the Institutional Biosafety Committee (IBC).If yes, provide: a. A copy of the signed approval letter from the IBC must be provided. b. a completed IBC application with description of potential dangers,and safety precautions and levels relevant to the animal colony and personnel to the GUACUC.c. a safety strategy meeting is required before animals can be ordered.
What did they do wrong? No reporting Of: Adverse Event Unexpected Occurrence
Study #2 Cancer vaccine trial using sequential vaccination withALVAC-CEA and Vaccinia-CEA. ALVAC-CEA supplied by NCI. Shipped ALVAC-IL2 – package labeledALVAC-CEA and administered to 6 subjects. (No injury subjectResulted)Telephone notification from NCI; followed by written notice Notice to IRB; approved written notice to subjects andsupplemental consent; written reports from PI Written notice to subjects and supplemental consent forms. Office of Biologic Activities notified; verified FDA, NIH, OPRR notified. Sentinel event investigation, report and recommendations - new pharmacy proceduresOHRP investigation and criticism for lack of direct notice of unanticipated occurrence. Subject of Congressional inquiry into adequacy of government oversight of adverse event data from gene therapy trials.
Pre-Belmont Report and Pre-Common RuleTuskegee syphilis studyIntentional exposure of soldiers to radiation in the 1940s and 1950sSecret administration of LSD to soldiers by the CIA and Army in the1950s and 1960sJewish Chronic Disease Hospital Study (injection with cancer cells)[Japanese “plague bombs”][Nazi experimentation]Stuttering as a learned condition
We hold that … a parent, appropriate relative, or other applicablesurrogate, cannot consent to the participation of a child or otherperson under legal disability in nontherapeutic research or studies in which there is any risk of injury or damage to the health of thesubject. Grimes v. Kennedy Krieger Institute, et al., 366 Md. 29,782 A.2d 807 (Ct App Md 2001)
Paul Gelsinger, addressing a meeting of the Recombinant DNA Advisory Committee on December 10, 1999: “All these people whoparticipated in this trial did a wonderful thing. They came in with the same intent my sonhad. It doesn’t get any purer.” (quoted by Sheryl Gay Stolberg in “Tribute and Apologies in Gene Therapy Death,” December 10, 1999) http://www.frrenchanderson.org/history/tribute/pdf___________________________________________________________________Olmstead v. United States, 277 U.S. 438, 479, 48 S.Ct. 564, 572-573 (1928), cited in Grimes v. Kennedy Krieger Institute, et al. “Experience should teach us to be most on our guard to protect liberty when the Government’s purposes are beneficent. Men born to freedom are naturally alert to repel invasion of their liberty by evil-minded rulers. The greatest dangers to liberty lurk in insidious encroachment by men of zeal, well-meaning but without understanding.” (Brandeis dissenting)
Georgetown University Office of Regulatory Affairs http://ora.georgetown.edu (IRB, IBC, IACUC, Radiation Safety, HIPAA, complaints/concerns) Office of Biotechnology Activities (Recombinant DNA Advisory Committee) http://www4.od.nih.gov/oba/ “Compliance with the NIH Guidelines for Research Involving Recombinant DNA Molecules” http://grants1.nih.gov/grants/guide/notice-files/NOT-OD-02-052.html NIH Guidelines stipulate biosafety and containment measures http://www4.od.nih.gov/oba/rac/guidelines/guidelines.html Office for Human Research Protection (OHRP) http://ohrp.osophs.dhhs.gov/ OHRP Compliance Activities: Determination Letters http://ohrp.osophs.dhhs.gov/detrm_letrs/lindex.htm Office of Research Integrity http://ori.dhhs.gov OIG